Discussion @TAPInternation @FixTheTaxTreaty @Expatriationlaw moderated by @RobertGoulder: "Citizenship-Based Taxation: A Simple Regulatory Fix" https://t.co/E6LFAh7C8P via @YouTube
— John Richardson – lawyer for "U.S. persons" abroad (@ExpatriationLaw) January 27, 2021
In 2016 I first made the suggestion that citizenship-based taxation could be changed through Treasury regulation. In October of 2020 John Richardson, Dr. Karen Alpert and Dr. Laura Snyder completed a paper titled “A Simple Regulatory Fix For Citizenship Taxation”. The idea advanced is that:
Although Congress and the Internal Revenue Code created the problem of “citizenship-based taxation”, Treasury has the authority and moral duty to fix the problems of citizenship-based taxation.
In 1924 the Supreme Court of the United States considered U.S. citizenship-based taxation in the case of Cook v. Tait. Of course in 1924, the laws of both citizenship and taxation were very different. I have previously explored the evolution of citizenship, taxation and citizenship-based taxation.
The article has received fairly wide distribution (including in the academic community).
This article explains the simple regulatory actions that United States Department of the Treasury can take that would, in the absence of legislative change, improve the lives of Americans living overseas and permit the IRS to better focus its limited resources to more effectively administer the U.S. tax system.
The article can be read at SSRN here.
The 2020 article can be at Tax Notes here.
I welcome your comments.
John Richardson – Follow me on Twitter @Expatriationlaw